BLM20125 - Defining long funding leases: basic definition: rules applying to lessees - example
Example
Two lessees, A Ltd and B Ltd, enter into identical full
pay-out finance leases on 1 June 2007. Rentals are £10,000 per
year for 10 years. The net present value (NPV) of the rentals is
£70,000.
Both companies have an accounting year end of 31 December.
A Ltd submits its return for the year to 31 December 2007 on
1 December 2008. The tax computation makes it clear that the
company is claiming a deduction for the capital element of the
lease rentals. The lease is therefore not a long funding lease.
B Ltd also submits its return for the year to 31 December
2007 on 1 December 2008. It claims capital allowances on
£70,000 and a deduction for only the finance charge element of
the lease rentals (that is the depreciation of the asset is added
back in the computations). The lease is therefore a long funding
lease.
If A Ltd were to amend its return by 31 December 2009
(perhaps later if an enquiry was made) it could claim capital
allowances and treat the lease as a long funding lease. B Ltd could
also change the tax treatment of its lease if it amended its
return.
